NARIT & Associates - International Law Firm in Bangkok, Thailand, with Thailand Lawyers/Legal Counsels advising Thai Laws on Legal & Tax Services NARIT & Associates - International Law Firm in Bangkok, Thailand, with Thailand Lawyers/Legal Counsels advising Thai Laws on Legal & Tax Services
Firm Profile Practices Industries Matters & Deals Lawyers Newsletters Events Careers Contact UsSearch

 

Home | Practices | Tax




TRANSFER PRICING
International Law Firm based in Bangkok, Thailand with Thailand Lawyers/Legal Counsels advising Thai Laws on Corporate Tax, Income Tax , Double Taxation Treaty, Export Import Tax, Real Estate Tax, Offshore/Contract Tax Planning, DTA, Transfer Pricing.
For many years, multinational corporations had been using the transfer pricing as one of tax planning strategies without much challenge from the Revenue Department of Thailand. Consequently, the Revenue Department lost a lot of tax revenues from the transfer pricing over those years. Therefore, in 2002 the Revenue Department issued the Departmental Instruction No. Por 113/2545 to set up the criteria to regulate the transfer pricing activities.

With this Departmental Instruction, transfer pricing should be used with care and is becoming more and more vulnerable to the tax audit by the Revenue Department.

If companies have related transactions with offshore affiliated companies at the prices not based on the armfs length basis, they may be vulnerable to the transfer pricing investigation made by the Revenue Department.

We assist clients on transfer pricing. In order to take the preventive measure against the transfer pricing investigation, some companies prepare the transfer pricing documents, which may be submitted to the Revenue Department upon request.

First, having the transfer pricing document is a preventive measure against the request to adjust up the profit made by the Revenue Department.

Second, knowing the profit margin of its peers in the same industry gives a company with more flexibility to adjust up or down its own profit margin.

Last but not least, presenting the transfer pricing documents to the Revenue Department official will shift the burden of proof to the Revenue Department.

 

 



Related News & Articles

Revenue Ruling on Importer's Royalty Payment to Overseas

Conditions for Tax-Free Business Transfer

Clarification Note on the Non-Cash Payment for Share Subscription in the Capital Increase of a Limited Company and a Public Limited Company

Tax Refund for any Person who Sold a Property before Continued Reduction of Specific Business Tax Became Effective

Tax Stimulus Package Becomes Effective

No Dividend Tax Credit for Beneficial Owner of Shares

Tax Privilege for Debt Restructure

New Ruling of the Board of Taxation on Loss Carry Forward of BOI Business and Non-BOI Business

Revenue Rudling on Income Recognition of Insurance Reserves upon Merger of General and Casualty Insurance Companies

Supreme Court Ruling on Exchanged Cashflows Derived from Interest Rate Swap

Revenue Ruling on Writing off Bad Debt Owed by Overseas Debtor

No More Dividend Tax Credit for Individual Shareholders of Company Paying the Petroleum Income Tax according to the New Ruling of Board of Taxation

Revenue Ruling on Business Assets Purchase at the Price Lower than the Market Price (Negative Goodwill)

Thai Tax Liability of Thai Companies' Overseas Employees

Thai Tax Credit from Foreign Tax on Overseas Income

Impact of SET's New Big Lot Sale Regulations on Tax-Free Share Sale in the SET

VAT on Services Fee Payment to an Offshore Company

Events & Seminars

Industry Forum - "Labor Law and HR Restructuring in the Turbulent Business Environment - Tax Issues in Employment and Remuneration"

Asia Busines Forum - "Corporate Legal Counsel Forum '09 - Legal Aspects of Managing Contract and Subcontract Risks"

Opportunities and Challenges for 2008 Real Estate Taxes Conference - "Real Estate Contract Tax Planning"



 
   ©Copyright NARIT & Associates | Site Map | Disclaimer | Contact Us